# Mr. Francis J. Mendez — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 16-0067
- **title:** Mr. Francis J. Mendez — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2016-08-02
- **effective on:** Not available
- **summary:** 16-0067 concerning 172.102, 175.10.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-16-0067.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-16-0067.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-16-0067
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/2017/160067.pdf
**body:**

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U.S. Department
of Transportation
1200 New Jersey Avenue, SE
Pipeline and Hazardous
Washington, D.C. 20590
Administration
Materials Safety
AUG 0 2 2016
Mr. Francis J. Mendez
P.O. Box 6362
San Juan, PR 00914
Reference No. 16-0067
Dear Mr. Mendez:
This letter is in response to your March 2, 2016, letter requesting clarification of the
Hazardous Materials Regulations (HMR; 49 CFR Parts 171-180) applicable to the shipment
of "UN0044, Primers, cap type, by air." Specifically, you ask if it is legal and in compliance
with the HMR for a person traveling aboard a passenger aircraft to transport in checked
baggage primers that are still packed in the original factory packaging, or if they must be
shipped by cargo aircraft. You cite memos from the Federal Aviation Administration (FAA)
and the Pipeline and Hazardous Materials Safety Administration (PHMSA) that prohibit the
transportation of primers in checked baggage. You further add that the listing for "UN0044,
Primers, cap type, 1.4S" in the § 172.102 Hazardous Materials Table allows primers to be
shipped as hazardous materials aboard passenger aircraft up to 25 kg.
As outlined in the two memos you cited in your letter, § 175.10 prohibits primers that meet
the definition of a 1.4S material from shipment in checked baggage on passenger aircraft.
The primers you describe would be permitted for shipment aboard a passenger or cargo
aircraft, with limitations, when offered to a common carrier in accordance with the HMR.
I hope this information is helpful. Please contact us if we can be of further assistance.
Sincerely,
T. Glenn Foster
Chief, Regulatory Review and Reinvention Branch
Standard and Rulemaking Division

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Andrews
Francis J. Mendez
8/72.101
P.O. Box 6362
HMT
San Juan, PR 00914
email: fjmendez@prw.net
16-0067
Dr. Magdy El-Sibaie
March 2, 2016
USDOT US Dept of Transportation
Associate Administrator for Hazardous Materials Safety
Pipeline and Hazardous Materials Safety Administration (PHMSA)
East Building, PHH-30
1200 New Jersey Ave, S.E.
Washington, D.C: 20590
16 APR -5 PM 3: 30
0OT/RSPA/ OHMS
Dear Mr. El-Sibaie - .
UNIT
I am writing to request your assistance with some questions I have researched but
cannot find clear answers to. I am hoping you or someone in your staff can help me
with answers to my questions, relating to CFR 172.101, and "primers, cap type) as
applicable to transporting in passenger aircraft, and or cargo aircraft. Specifically, !
want to know if I can bring small arms primers (cap-type), packed in their original,
factory packaging, in my checked luggage, or send in cargo aircraft.
I have read CFR 172.101 and the Hazard Materials Tables (page 262) and I understand
that the type of primers used in small pistol reloading fall under the following description
and category:
Hazard Description:
Hazard Class/Division:
Primers, cap type
1.4S
ID No.:
UN0044
Label Codes:
None
Packing Ex.:
None
Quantity Limitation,
Passenger Aircraft:
25kg
Commercial Aircraft:
100kg
I my research I found a communication from the TSA (dated Feb. 12, 2010) by a Mr.
Chad Bash, Assistant, General Manager, for Communications and Resolution, Office of
Security Operations, TSAHSA which was addressed to C. Tulpa at the Wild Outdoor
Adventures Television which (although dated) included the following paragraph:
"Primers must be protected from accidental initiation and must also be the type.
permitted by the Department of Transportation Hazardous Materials Regulations.
You will have to determine the hazard class of the 209 Primers. Dependent on
the hazard class, the primers may or may not be placed in checked baggage. To
assist you in that determination, we suggest that you contact the Pipeline and
Hazardous Materials Safety Administration (PHMSA) at 1-800-467-4922.
Although TSA does not have a limit to the number of allowable primers, air
carriers may have their own requirements regarding the amount of primers that
can be transported in checked baggage." (Note: In this paragraph they are
referring to 209 primers, which are "Shotshell" primers).

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Page 2 of 2.
March 2, 2016
Dr. Magdy El-Sibaie
However, I have also found some general information from the FAA that would seem to
contradict that statement:
https://www.faa.gov/about/initiatives/hazmat safety/more_ info/?hazmat=4
"Small arms ammunition includes cartridges up to 19.1 mm (.75 caliber) and
shotgun shells. It does not include black powder, smokeless powder, primers,
percussion caps, or homemade powder and ball loads for muzzle loading."
I also found the following:
http://phmsa.dot.gov/safetravel/ammunition
"May I carry ammunition components? You may carry separate non-hazardous
components of ammunition such as empty cartridge cases or inert bullets.
Separate hazardous components such as black powder, smokeless powder,
percussion caps, primers, wrapped charges used in muzzle-loading applications,
or similar items are prohibited."
In further reading of CFR 172.101 (page 163) and from what I can gather from the
document, the description for small arms ammunition (Cartridges for weapons, or
cartridges for small arms), with Hazard Class/Division 1.4S (ID No: UN0012), an item
which one can carry up to 11 Ibs. in "checked luggage" on passenger aircraft, that said
item's Hazard Class/Division of 1.4S, and Quantity Limitations of 25kg seem to be the
same as for the "Primers, cap type"
That being the case, it would seem to me that there is a possibility that based on the
CFR and the "primers, cap type" table description, that one could legally and in
accordance to applicable regulations, include in one's checked luggage "primers, cap
type" that meets the 1.4S class and ID No UN0044.
I would appreciate if you could clarify if a person traveling from a city in the continental
US to the island of PR (or vice versa) can legally and in compliance with applicable
regulations governing traveling with "Primers, cap type" as those described above, can
bring small arms primers (cap-type), packed in their original factory packaging, in the
persons checked luggage, or send them using a cargo aircraft courier type company.
Thank you in advance for your time and clarification of this issue.
Francis J. Mendez
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